¶ The issue presented in this case is whether the determination of the Tax Commission, that petitioner had underreported his income for 1972, 1973 and 1974 and was liable for personal income tax on the unreported funds for those years, is supported by substantial evidence. We conclude that it was. The determination should, therefore, be confirmed and the petition dismissed. ¶ Petitioner, an insurance broker, had suffered a heart attack in 1965 and was thereafter...
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